Important Notice The Depository Trust Company

Similar documents
To Brokers, Dealers, Commercial Banks, Trust Companies and Other Nominees:

ORD ISIN: DE / CINS CUSIP: D (ADR: / US )

TAXATION OF TRUSTS IN ISRAEL. An Opportunity For Foreign Residents. Dr. Avi Nov

Gerry Weber International AG

ARTICLE I. TAX CERTIFICATION PROCEDURES

Double Tax Treaties. Necessity of Declaration on Tax Beneficial Ownership In case of capital gains tax. DTA Country Withholding Tax Rates (%)

Withholding Tax Handbook BELGIUM. Version 1.2 Last Updated: June 20, New York Hong Kong London Madrid Milan Sydney

Important Notice The Depository Trust Company

Table of Contents. 1 created by

Q&A. 1. Q: Why did the company feel the need to move to Ireland?

Hannover Rueckversicherung AG

Guide to Treatment of Withholding Tax Rates. January 2018

Open Day 2017 Clearstream execution-to-custody integration Valentin Nehls / Jan Willems. 5 October 2017

INGERSOLL-RAND COMPANY LIMITED (Exact name of registrant as specified in its charter)

Slovakia Country Profile

Reporting practices for domestic and total debt securities

Porsche Automobil Holding SE

Following our Announcement A10025, dated 15 February 2010, effective. 1 March 2010

PENTA CLO 2 B.V. (the "Issuer")

Move to T+2 settlement cycle: Singapore market

Corrigendum. OECD Pensions Outlook 2012 DOI: ISBN (print) ISBN (PDF) OECD 2012

Approach to Employment Injury (EI) compensation benefits in the EU and OECD

Important Notice The Depository Trust Company

Important Notice The Depository Trust Company

Finland Country Profile

STOXX EMERGING MARKETS INDICES. UNDERSTANDA RULES-BA EMERGING MARK TRANSPARENT SIMPLE

This Chief Counsel Advice responds to your request for assistance. This advice may not be used or cited as precedent.

Setting up in Denmark

Fee Schedule for NSD s Depository Services

INTESA SANPAOLO S.p.A. INTESA SANPAOLO BANK IRELAND p.l.c. 70,000,000,000 Euro Medium Term Note Programme

(of 19 March 2013) Valid from 1 January A. Taxpayers

APA & MAP COUNTRY GUIDE 2017 DENMARK

EQUITY REPORTING & WITHHOLDING. Updated May 2016

APA & MAP COUNTRY GUIDE 2017 UNITED STATES

Alter Domus IRELAND WE RE WHERE YOU NEED US.

FOREWORD. Estonia. Services provided by member firms include:

FATCA Update May 2014

Recommendation of the Council on Tax Avoidance and Evasion

Financial wealth of private households worldwide

Withholding Tax Rate under DTAA

APA & MAP COUNTRY GUIDE 2017 CANADA

Lithuania Country Profile

BULGARIAN TRADE WITH EU IN THE PERIOD JANUARY - APRIL 2017 (PRELIMINARY DATA)

BULGARIAN TRADE WITH EU IN THE PERIOD JANUARY - MAY 2017 (PRELIMINARY DATA)

Ireland signs Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS

Austria Country Profile

Third Revised Decision of the Council concerning National Treatment

Slovenia Country Profile

Withholding tax rates 2016 as per Finance Act 2016

TAXATION (IMPLEMENTATION) (CONVENTION ON MUTUAL ADMINISTRATIVE ASSISTANCE IN TAX MATTERS) (AMENDMENT OF REGULATIONS No. 3) (JERSEY) ORDER 2017

Deadlines to preserve taxpayer rights to request competent authority assistance to relieve double taxation

Madeira: Global Solutions for Wise Investments

Dutch tax treaty overview Q3, 2012

Czech Republic Country Profile

Czech Republic Country Profile

Tax Newsflash January 31, 2014

IRS Reporting Rules. Reference Guide. serving the people who serve the world

Table of Contents DIVIDEND EVENT DETAILS

Summary of key findings

Public Pension Spending Trends and Outlook in Emerging Europe. Benedict Clements Fiscal Affairs Department International Monetary Fund March 2013

Albania 10% 10%[Note1] 10% 10% Armenia 10% 10% [Note1] 10% 10% Austria 10% 10% [Note1] 10% 10%

Double tax considerations on certain personal retirement scheme benefits

January 12 th,

Sweden Country Profile

Czech Republic Country Profile

Definition of international double taxation

Summary 715 SUMMARY. Minimum Legal Fee Schedule. Loser Pays Statute. Prohibition Against Legal Advertising / Soliciting of Pro bono

Turkey Country Profile

Turkey Country Profile

Spain France. England Netherlands. Wales Ukraine. Republic of Ireland Czech Republic. Romania Albania. Serbia Israel. FYR Macedonia Latvia

Information Circular: PowerShares Exchange-Traded Fund Trust II

Section 872. Gross Income. Rev. Rul

Latvia Country Profile

APA & MAP COUNTRY GUIDE 2018 UKRAINE. New paths ahead for international tax controversy

Other Tax Rates. Non-Resident Withholding Tax Rates for Treaty Countries 1

Countries with Double Taxation Agreements with the UK rates of withholding tax for the year ended 5 April 2012

Rev. Proc Implementation of Nonresident Alien Deposit Interest Regulations

Non-resident withholding tax rates for treaty countries 1

Global Tax Reset Transfer Pricing Documentation Summary. February 2018

Vinodh & Muthu. Tax Alert. Insight. Chartered Accountants. Country by Country Reporting & Master File

Contents. Andreas Athinodorou Managing Director International Tax Planning

a closer look GLOBAL TAX WEEKLY ISSUE 249 AUGUST 17, 2017

Burden of Taxation: International Comparisons

Valid from 1 January A. Taxpayers

Head Traders, Technical Contacts, Compliance Officers, Heads of ETF Trading, Structured Products Traders. Exchange-Traded Fund Symbol CUSIP #

ide: FRANCE Appendix A Countries with Double Taxation Agreement with France

Revenue Arrangements for Implementing EU and OECD Exchange of Information Requirements In Respect of Tax Rulings

Global Economic Briefing: Global Inflation

IMPORTANT TAX INFORMATION

15 Popular Q&A regarding Transfer Pricing Documentation (TPD) In brief. WTS strong presence in about 100 countries

CYPRUS HOLDING COMPANIES

The Advantages of the Cyprus Tax System

Tax Desk Book. ISRAEL S. Horowitz & Co

TRUST AND SETTLEMENT DETAILS FORM

TRADE IN GOODS OF BULGARIA WITH EU IN THE PERIOD JANUARY - JUNE 2018 (PRELIMINARY DATA)

TAX INFORMATION PORTUGUESE INTERNATIONAL DOUBLE TAXATION TREATIES. PLMJ Sharing Expertise. Innovating Solutions. April 2011

Alter Domus LUXEMBOURG

APA & MAP COUNTRY GUIDE 2017 CROATIA

COMPANY DETAILS FORM

Total Imports by Volume (Gallons per Country)

Transcription:

Important Notice The Depository Trust Company B #: 5809-17 Date: June 7, 2017 To: Category: From: Attention: All Participants Dividends International Services Operations, Reorg & Dividend Managers, Partners & Cashiers Tax Relief Country: ISRAEL Subject: THE ISRAEL ELECTRIC CORPORATION LIMITED CUSIP: 46507MAD4 & 46507NAD2 & 46507MAE2 & 46507NAE0 Record Date: 06/06/2017 Payable Date: 06/21/2017 CA Web Instruction Deadline: 06/20/2017 8:00 P.M. Participants can use DTC s Corporate Actions Web (CA Web) service to certify all or a portion of their position entitled to the applicable withholding tax rate. Participants are urged to consult TaxInfo respectively before certifying their instructions over CA Web. All holders will be paid less 25% withholding under the following CA ID#s: CUSIP# 46507MAD4 CA ID # 104984377 CUSIP# 46507MAE2 CA ID # 104984371 CUSIP# 46507NAD2 CA ID# 104984369 CUSIP# 46507NAE0 CA ID# 104984375 Eligible holders who comply with the tax certification procedures have the possibility to obtain an immediate quick refund of withholding by electing in CA Web under the following CA ID#s: CUSIP# 46507MAD4 CA ID# 104984378 CUSIP# 46507MAE2 CA ID # 104984372 CUSIP# 46507NAD2 CA ID# 104984374 CUSIP# 46507NAE0 CA ID# 104984376 *Note Both events will allocate on 06/21/2017. Important: Prior to certifying tax withholding instructions, participants are urged to read, understand and comply with the information in the Legal Conditions category found on TaxInfo over the CA Web. ***Please read this Important Notice fully to ensure that the self-certification document is sent to the agent by the indicated deadline*** Questions regarding this Important Notice may be directed to Acupay 212-422-1222.

Important Legal Information: The Depository Trust Company ( DTC ) does not represent or warrant the accuracy, adequacy, timeliness, completeness or fitness for any particular purpose of the information contained in this communication, which is based in part on information obtained from third parties and not independently verified by DTC and which is provided as is. The information contained in this communication is not intended to be a substitute for obtaining tax advice from an appropriate professional advisor. In providing this communication, DTC shall not be liable for (1) any loss resulting directly or indirectly from mistakes, errors, omissions, interruptions, delays or defects in such communication, unless caused directly by gross negligence or willful misconduct on the part of DTC, and (2) any special, consequential, exemplary, incidental or punitive damages. To ensure compliance with Internal Revenue Service Circular 230, you are hereby notified that: (a) any discussion of federal tax issues contained or referred to herein is not intended or written to be used, and cannot be used, for the purpose of avoiding penalties that may be imposed under the Internal Revenue Code; and (b) as a matter of policy, DTC does not provide tax, legal or accounting advice and accordingly, you should consult your own tax, legal and accounting advisor before engaging in any transaction. DTCC offers enhanced access to all important notices via a Web-based subscription service. The notification system leverages RSS Newsfeeds, providing significant benefits including real-time updates and customizable delivery. To learn more and to set up your own DTCC RSS alerts, visit http://www.dtcc.com/subscription_form.php. Non-Confidential 1

THE ISRAEL ELECTRIC CORPORATION LIMITED The Israel Electric Corporation Limited (as issuer) and Acupay System LLC (Acupay, as tax compliance agent) are distributing this notice with regard to the below described notes (the Notes ). Interest and related income on the notes are generally subject to Israeli withholding tax, except for: All beneficial owners which are tax resident of a country other than Israel; Regulated Israeli financial institutions; and Israeli tax residents with an Israeli Certificate of 0% Withholding. Exemption from withholding tax is subject to certification of exempt persons and entities through the Acupay System and use of the CA Web/Tax Relief facilities, as described in this notice. Issuer: Security Type: CUSIPs / ISINs: Country Tax Regime: Next Record Date: Next Interest Payment Date: Interest Rates: Withholding Tax Rates: Tax Relief Timetable: Israel Electric Corporation Limited Corporate Notes 5.625% Notes due 144A Notes: 46507MAD4 / US46507MAD48 2018 RegS Notes: 46507NAD2 / US46507NAD21 6.875% Notes due 144A Notes: 46507MAE2 / US46507MAE21 2023 RegS Notes: 46507NAE0 / US46507NAE04 Israel Income Tax Ordinance (new version) 5721 1961, certain regulations thereof and a tax ruling of the Israel Tax Authority dated June 10, 2013. The tax regime provides for exemption from Israel withholding tax for exempt investors identified by Qualified Custodians, as described herein. June 6, 2017 (Tue) June 21, 2017 (Wed) 2018 Notes: 5.625% per annum 2023 Notes: 6.875% per annum (i) non Israeli tax residents, (ii) Israeli regulated financial institutions, and (iii) Israeli tax residents with an Israeli Certificate of 0% 0% (exempt) Withholding. In each case, exemption must be certified by a Qualified Custodian, as described in this notice. 24% Israeli tax resident corporations (other than financial institutions) (i) Israeli tax resident individuals and (ii) beneficial owners for which 25% the procedures described in this notice have not been properly and timely followed. TAX RELIEF AT SOURCE: Submission of Beneficial Owner Tax Residence Information via the Acupay System by Qualified Custodians; and instructions via the CA Web/Tax Relief ( CA Web/TaxRelief ) Service by DTC Participants. Acupay Open June 7, 2017 9:00 Acupay June 20, 2017 A. Date: a.m. EDT (Wed) Deadline: 8:00 p.m. EDT (Tue) CA Web CA Web June 7, 2017 9:00 June 20, 2017 8:00 Instructions Instructions a.m. EDT (Wed) p.m. EDT (Tue) Open Date: Deadline: QUICK REFUND: B. Acupay Open Date: June 22, 2017 9:00 a.m. EDT (Thu) Acupay Deadline: July 5, 2017 5:00 p.m. EDT (Wed) 2

TABLE OF CONTENTS SUMMARY... 3 PROCEDURE A: TAX RELIEF AT SOURCE PROCEDURE... 4 PROCEDURE B: QUICK REFUND PROCEDURES... 8 Direct Refund from Israeli Tax Authorities... 8 Rules for use of the DTC CA Web/TaxRelief Service... 9 Contacts... 9 Annex A: List of OECD Member countries and countries that have a convention for the avoidance of double taxation with the State of Israel... 10 Annex B: Explanatory List of Investor Types for Israeli Tax Purposes... 11 SUMMARY Pursuant to Israeli law, including the Income Tax Ordinance (new version) 5721 1961, certain regulations thereunder and binding tax rulings thereto, interest income derived from the Notes by a non Israeli tax resident holder, or by regulated Israeli financial institutions, or by an Israeli resident entity or person with a Israeli Certificate of 0% Withholding, will not be subject to Israeli withholding tax, unless the beneficial owner or its Qualified Custodian (including its DTC participant) fails to comply with the tax compliance procedures summarized below and as described in the relevant Offering Circular and Pricing Supplement for the Notes. Direct and indirect participants of DTC and other clearing systems located in OECD countries, or in countries with which Israel maintains a bi lateral tax treaty (such financial institutions, Qualified Custodians ), and which hold the securities directly or indirectly with a Qualified Clearing System (as defined in the related Offering Circular) which request exemption from Israeli withholding tax via DTC s CA Web Instruction Service ( CA Web/TaxRelief ) are required to provide information with respect to the tax residence of beneficial owners in support of their CA Web/TaxRelief instructions. The Issuer has arranged certain procedures with DTC and Acupay System to facilitate the collection from Qualified Custodians of such information concerning the tax residency of beneficial owners of the Notes. Failure to provide such information with respect to the tax residence of the beneficial owners via the Acupay System or to follow the required procedures (including the use of the CA Web/TaxRelief) will result in 25% withholding from the interest payment. Further information on Israeli withholding tax requirements can be found in the Offering Circular and Pricing Supplement for the Notes at www.acupay.com/israelelectric. 3

PROCEDURE A: TAX RELIEF AT SOURCE PROCEDURE I. Submission of tax residence information. Beginning on June 7, 2017 (the first New York Business Day after the Record Date), through and including 8:00 p.m. EDT on June 20, 2017 (the New York Business Day prior to the Interest Payment Date), DTC participants that are Qualified Custodians must take the following steps to submit information with respect to the tax residence of Beneficial Owners of the Notes (the Beneficial Owner Tax Residence Information ): A. Make an instruction via the DTC CA Web/TaxRelief ( TaxRelief ) Service to certify the aggregate amount of the Notes it holds for which it is entitled to receive gross or net payments on each relevant Interest Payment Date. The default condition is net. B. Report to www.acupaysystem.com the supporting information regarding the aggregate amount of securities held per each of the following beneficial owner types listed below. Please read carefully the full description of these investor types in Annex B. Investor Type No. Investor Type 4 Tax treatment Tax Rate 1. Non Israeli tax resident individuals Favorable: paid gross when the tax procedures are properly followed 0% 2. Non Israeli tax resident legal entities Favorable: paid gross when the tax procedures are properly followed 0% 3. Israeli tax resident individuals Unfavorable: paid net 25% 4. Israeli tax resident corporations (other than financial institutions) Unfavorable: paid net 24% 5. Israeli tax resident financial institutions Favorable: paid gross when the tax procedures are properly followed 0% 6. Israeli tax residents with an Israeli Favorable: paid gross when the tax Certificate of 0% Withholding procedures are properly followed 0% Data submitted via the Acupay System for beneficial owner tax types 1 and 2 (non Israeli tax residents) should include aggregate reports on the amount of Notes held by clients in each country of tax residence, without including the names or tax ID numbers of such non Israeli beneficial owners. Data submitted via the Acupay System with respect to beneficial owner tax types 3, 4, 5 and 6 should include, per beneficial owner: a. the amount held per beneficial owner, b. beneficial owner name, c. beneficial owner Tax ID Number, d. beneficial owner full address, e. beneficial owner tax type (from the list above), and f. (only for beneficial owners included within Type 6) the Beneficial Owner Tax Residence Information must be supplemented by the transmission of an electronic copy of a valid Certificate of 0% Withholding issued by the Israeli Tax Authority, certifying that the final beneficial owner is recognized as tax exempt and is not subject to Israeli withholding tax.

Each DTC Participant and Qualified Custodian must ensure the continuing accuracy of the above listed Beneficial Owner Tax Residence Information, including the related CA Web/TaxRelief instruction, irrespective of any changes in, or in the beneficial ownership of, such DTC Participant s position in the Notes through 8:00 p.m. EDT time on June 20, 2017 (the New York Business Day immediately preceding the Interest Payment Date) by making adjustments through the Acupay System and CA Web/TaxRelief. All changes must be reflected, including those changes (via the Acupay System) which do not impact the DTC Participant s overall position at DTC or the portion of that position at DTC as to which no Israeli withholding tax is being assessed. C. After entry of Beneficial Owner Tax Residence Information into the Acupay System by the DTC Participant or Qualified Custodian, the Acupay System will produce a completed KYC Tax Compliance Form, which shall summarize the Beneficial Owner Tax Residence Information introduced and maintained by such entity in the Acupay System. D. Beneficial Owner Tax Compliance Information must be confirmed by Qualified Custodians to the Acupay System via one of the following two means: Or Email a PDF scan or fax a copy of a barcoded KYC Tax Compliance Form produced by the Acupay System, printed, reviewed, and (if accurate) duly signed by the Qualified Custodian. The signed KYC Form must be emailed (by the participant or downstream correspondent, as relevant) to certify@acupay.com or faxed to Acupay at +1 646 383 9489 or +44 207 067 8453. NOTE: Certifying parties MUST use the KYC Tax Compliance Forms that are generated by the Acupay System (showing the official Acupay barcodes) as no other form of KYC Tax Compliance Form will be accepted. Acupay submissions will not be processed until Acupay has received (via email or fax) signed KYC Tax Compliance Forms. Please Note: There is no need to send paper versions of the KYC forms via post or courier. 1. Transmit electronic messages compliant with either ISO 20022 or ISO 15022, such as a SWIFT MT565, submitted through and in accord with established practices of the relevant (I)CSD, further validated and securely transmitted to Acupay by the relevant (I)CSD via a SWIFT MT565 or similar electronic means. Each such electronic message shall contain all of the relevant Beneficial Owner Tax Residence Information, and shall also reference affirmation of the written statements contained within the KYC Tax Compliance Form included as Exhibit I to Annex C to the Offering Circular for the Notes. In addition, electronic messages submitted on the behalf of beneficial owners in tax category number 6 must be supplemented with the prompt electronic delivery to Acupay of a valid Israeli Certificate of 0% Withholding. II. Use of the Acupay System: available to all direct and indirect participants of DTC. A. Currently registered financial intermediaries. Most DTC participants and many participants of other Qualified Clearing Systems are already registered to employ the Acupay System. If the participants, including members of their respective teams, are currently registered to use the Acupay System (for the Notes or any other securities issue), there is no need to register again since the existing login details can be used. 5

B. Financial intermediaries not currently registered to employ the Acupay System. DTC participants that are not currently registered to employ the Acupay System must visit the Acupay System website at www.acupaysystem.com, and register their institution and one or more authorized employees who will be responsible for making tax certifications on behalf of the DTC participant. C. DTC participants that provide omnibus clearing or sub custodial services for other financial intermediaries should: 1. Assure that their downstream correspondents are registered to employ the Acupay System. If the downstream correspondents are already registered to use the Acupay System (for the Notes or for any other securities issue), there is no need for them to register again their existing login details can be used. However, if the downstream correspondents were not previously registered to use the Acupay System, the DTC participant can arrange an instant registration, either by: a. Entering the details of such downstream correspondents directly into the Manage My Account section of the Acupay System by clicking on Omnibus Accounts and then on Add New Omnibus Account ; or by b. Permitting such downstream correspondents to register themselves by providing them with an Acupay Registration Code. Registration codes can be obtained within the Manage My Account section of the Acupay System by clicking on Omnibus Accounts. 2. Confirm via the Acupay System the downstream correspondents omnibus positions. These confirmations are made ONLY with regard to the aggregate omnibus amount held by the downstream correspondents, NOT with regard to the tax residency type or identity of the endinvestor clients of the downstream correspondents. Aggregate position confirmations should be continuously updated through 9:45 a.m. EDT on the date of disbursement of the interest payment (June 21, 2017), just like all other information entered in the Acupay System. 3. Make the related CA Web/TaxRelief instructions, which conform (as to their net or gross character, only) to the relevant amount of Acupay certifications made by the downstream correspondents. D. Non Qualified Custodians. DTC participants or their downstream correspondents, which are located in countries that are neither members of the Organization for Economic Co operation and Development ( OECD Countries ) nor countries with which Israel has entered into a Treaty for the Avoidance of Double Taxation ( Tax Treaty Countries ), are non Qualified Custodians, and, as such, will be allowed to register in the Acupay System, but will not be eligible to participate in the Tax Relief at Source Procedures. Such entities may, however, follow the Quick Refund Procedures for non Qualified Custodians, as described in Procedure B: Section II, below. Please refer to Annex A for a list of OECD Countries and Israeli Tax Treaty Countries. NOTE: The procedure for use by downstream correspondents has been designed consistent with the recommendations of the Committee of Fiscal Affairs of the OECD, which noted in its report of January 23, 2013: The financial institution that has information regarding the beneficial owner may be several layers away from the withholding agent. Therefore, passing client information through a chain of multiple layers of financial intermediaries is inefficient, and imposes substantial administrative burdens on the intermediaries. In addition to the administrative burdens involved in processing large amounts of paper (or even electronic communications), a more fundamental problem with any such requirement is that it is inconsistent with the intermediary s business 6

goal of protecting its proprietary customer information. Businesses do not pass their customer lists to their competitors; much less let their competitors know the investment preferences of those customers. III. Synchronization of CA Web/TaxRelief Instructions and Related Acupay Data Submissions The aggregate amounts certified through the Acupay System and those instructed through CA Web/TaxRelief must be in sync. It is the responsibility of each DTC Participant to ensure that the principal amount of Notes which they and their downstream correspondents have certified via the Acupay System is equal to the principal amount of Notes for which they have made CA Web/TaxRelief instructions. Data introduced in both CA Web/TaxRelief and Acupay may be modified (in either system) until 8:00 p.m. EDT on June 20, 2017. Acting on a best efforts basis, Acupay staff will warn participants of any misalignments between CA Web/TaxRelief instructions and Acupay certifications, and will seek to assist in reconciling them until 9:45 a.m. EDT on June 21, 2017. IMPORTANT IT IS THE RESPONSIBILITY OF DTC PARTICIPANTS AND THEIR DOWNSTREAM CORRESPONDENTS TO UPDATE BENEFICIAL OWNER INFORMATION ENTERED IN THE ACUPAY SYSTEM, AS NECESSARY, TO KEEP IT IN SYNC WITH CLIENTS ACTUAL POSITIONS. UPDATES MUST CONTINUE UNTIL 9:45 A.M. EDT ON JUNE 21, 2017. DTC participants whose Acupay certifications and CA Web/TaxRelief instructions are out of alignment on the morning of June 21, 2017 (i.e., the day when the interest payment will be disbursed), may ask DTC to modify their CA Web/TaxRelief instructions, to bring them into alignment, by sending an email to InternationalTax@DTCC.com, specifying (i) the DTC account, (ii) the total position in the CUSIP, (iii) the requested FAVORABLE instruction, and (iv) the requested UNFAVORABLE instruction, NO LATER THAN 9:45 A.M. EDT on June 21, 2017, with a copy to ateam@acupay.com. The Acupay System will remain accessible to DTC participants (and their downstream correspondents) to make any necessary updates of Beneficial Owner Tax Residence Information or KYC Tax Compliance Forms through 9:45 a.m. EDT on June 21, 2017, the interest payment date. DTC participants whose CA Web/TaxRelief instructions and Acupay certifications are not aligned by 9:45 a.m. EDT on June 21, 2017 will receive the interest payment on their entire position, net of 25% Israeli withholding tax. DTC participants who receive net treatment due to the misalignment of their CA Web/TaxRelief instructions and Acupay certifications may request relief through the Quick Refund Procedures described in Procedure B below. 7

PROCEDURE B: QUICK REFUND PROCEDURES There are two types of Quick Refund Procedures. One is for use by Qualified Custodians; the other is for use by non Qualified Custodians. I. Beneficial owners holding through a DTC participant that is a Qualified Custodian. Beneficial owners who received interest, net of 25% Israeli withholding tax, due to a failure of a Qualified Custodian to comply with the Relief at Source Procedure, may qualify for a refund through the Quick Refund procedure. Participants that are Qualified Custodians may use the Acupay System to request relief through the Quick Refund Procedure on behalf of their clients, beginning June 22, 2017 at 9:00 a.m. EDT time, until July 5, 2017 at 5:00 p.m. EDT. II. Beneficial owners holding through a DTC Participant or other financial intermediary that is not a Qualified Custodian. The Quick Refund Procedure for use by non qualified custodians requires an Acupay submission (via electronic means) by no later than July 5, 2017 (by 5:00 p.m. EDT) of: a. A DTC statement that confirms the holder s securities entitlement on the interest payment date. If the Notes are held with a downstream correspondent of a DTC participant, the DTC Participant must also provide a statement that confirms the correspondent s securities entitlement on the interest payment date; b. A custodian statement that includes an accounting record of the amounts of such position, and payments that were attributable to the relevant beneficial owner; c. A certificate of tax residency issued by the tax authorities of the country of residence of each non Israeli tax resident beneficial owner. Such certificate of tax residence should state that it is valid during the relevant calendar year, or should have been issued no more than 12 months prior to the interest payment date. d. For Israeli tax residents qualified within tax category type 6, a valid Certificate of 0% Withholding issued by the Israeli Tax Authority. PLEASE NOTE: The Quick Refund will be paid via wires from The Bank of New York, London Branch, as Paying Agent. For any Quick Refund requests submitted by DTC Participants, such DTC Participants must provide (or confirm if we already have them on file) wire instruction details for the account into which they would like to receive the Quick Refund amounts, together with an original W 8BEN or W 9 Form, as applicable. Direct Refund from Israeli Tax Authorities If investor holdings have not been certified, for any reason, through the Relief at Source or Quick Refund procedures, and have received unfavorable tax treatment, eligible investors may request a tax refund from the Israeli tax authorities by submitting an annual tax return in Israel for the relevant tax year. Acupay can assist in this process. 8

Rules for use of the DTC CA Web/TaxRelief Service In accordance with the rules and operational procedures of DTC, by submitting CA Web/TaxRelief instructions, DTC participants agree that they will indemnify The Israel Electric Corporation Limited and its agents for any liability, which may incur as a result of reliance upon information provided by these participants on such CA Web/TaxRelief instructions and supporting Beneficial Owner Tax Compliance Information. Through their submission of CA Web/TaxRelief instructions, DTC participants also agree to return any funds erroneously received (including any interest, penalties, and additions to tax thereon) arising from their CA Web/TaxRelief instructions and supporting data. Contacts Questions regarding the CA Web/TaxRelief process should be directed to DTC's International Services: InternationalTax@DTCC.com, or at +1 (888) 382 2721. Questions regarding the foregoing tax procedures, and with respect to tax relief entitlements, should be directed to: Gisello Hertz, in New York Acupay System LLC 30 Broad Street 46th Floor New York, NY 10004 United States Tel. +1 (212) 422 1222 Email: ghertz@acupay.com Arielle Einstein, in London Acupay System LLC Unit 2 242 Kingsland Road London, UK E8 4DG United Kingdom Tel. +44(0) 20 7382 0340 Email: aeinstein@acupay.com 9

Annex A: List of OECD Member countries and countries that have a convention for the avoidance of double taxation with the State of Israel (Identified by Acupay System LLC as of May 25, 2017) 1 List of OECD Member countries Australia Hungary Norway Austria Iceland Poland Belgium Ireland Portugal Canada Israel Slovak Republic Chile Italy Slovenia Czech Republic Japan Spain Denmark Korea Sweden Estonia Latvia Switzerland Finland Luxembourg Turkey France Mexico United Kingdom Germany Netherlands United States Greece New Zealand List of countries that have a convention for the avoidance of double taxation with the State of Israel Austria India Romania Belarus Ireland Russia Belgium Italy Singapore Brazil Jamaica Slovak Republic Bulgaria Japan Slovenia Canada Korea (R.O.K.) South Africa China Latvia Spain Croatia Lithuania Sweden Czech Republic Luxembourg Switzerland Denmark Malta Taiwan Estonia Mexico Thailand Ethiopia Moldova Turkey Finland Netherlands Ukraine France Norway United Kingdom Georgia Panama United States Germany Philippines Uzbekistan Greece Poland Vietnam Hungary Portugal 1 Sources: (i) OECD website [http://www.oecd.org/general/listofoecdmembercountries-ratificationoftheconventionontheoecd.htm] (ii) Ministry of Finance of Israel: [http://www.financeisrael.mof.gov.il/financeisrael/pages/en/economicdata/internationalagreements.aspx] 10

Annex B: Explanatory List of Investor Types for Israeli Tax Purposes No. Investor Type 1. Non Israeli tax resident individual 2. Non Israeli tax resident legal entities Explanation A non Israeli tax resident physical person for whom ALL of the following statements are true: the State of Israel is not his or her permanent place of residence, the State of Israel is not the place of residence of his or her family (husband, wife or children), his or her ordinary or permanent place of activity is NOT in the State of Israel and he or she does NOT have a permanent establishment in the State of Israel, he or she does NOT engage in an occupation in the State of Israel, he or she does NOT own a business or part of a business in the State of Israel, he or she is NOT insured by the Israeli National Insurance Institution, he or she was NOT present (or planning to be present) in Israel for 183 days or more during this tax year and the preceding tax year, he or she was NOT present (nor planning to be present) in Israel for 30 days or more during this tax year, and the total period of his or her presence in Israel during this tax year and the two previous tax years is less than 425 days in total. A non Israeli tax resident legal entity for which ALL of the following statements are true: the legal entity is NOT registered with the Registrar of Companies in Israel, the legal entity is NOT registered with the Registrar of "Amutot" (non profit organizations) in Israel, the legal entity is NOT registered with the Registrar of Partnerships in Israel, the control of the legal entity is NOT located in Israel, the management of the legal entity is NOT located in Israel, the legal entity does NOT have a permanent establishment in Israel, and no Israeli resident holds, directly or indirectly via shares or through a trust or in any other manner or with another who is an Israeli resident, 25.0% or more of any means of control in the legal entity as specified below: o The right to participate in profits; o The right to appoint a director; o The right to vote; o The right to share in the assets of the legal entity at the time of its liquidation; and o The right to direct the manner of exercising one of the rights specified above. NOTE: If the beneficial owner is a trust or a partnership, it can only benefit from the 0% tax rate if ALL beneficiaries and the settlers of the trust or ALL the partners in the partnership are NOT Israeli residents. 3. Israeli tax resident individual An Israeli tax resident physical person for whom ALL of the following statements are true: he or she is NOT an employee of the Israel Electric Corporation Limited, he or she does NOT belong to type 1. NOTE: If the beneficial owner is an Israeli resident for tax purposes who is an employee of the Israel Electric Corporation Limited, please contact Acupay at +1 212 422 1222 in New York or +44 207 382 0340 in London. 11

4. Israeli tax resident corporation A legal entity resident in Israel for tax purposes which does NOT belong to types 2, 5 or 6. 5. Israeli tax resident financial institution 6. Israeli Tax Residents with an Israeli Certificate of 0% Withholding An entity that is resident in Israel for tax purposes that is a bank or a member of the Tel Aviv Stock Exchange. An Israeli tax resident financial institution should be informed that taxes will not be withheld from the payments made to it and that it is the Israeli financial institution s responsibility to withhold Israeli taxes and it is subject to withholding tax obligations as required under the Israeli Income Tax Ordinance and the regulations promulgated thereunder relating to the withholding of Israeli tax in respect to such payments in connection with the Notes. A physical person or an entity resident in Israel for tax purposes that currently holds a valid Certificate of Withholding issued by the Israeli Income Tax Authority that grants a 0% withholding rate in respect of interest. These may include: Israeli tax resident public benefit institutions in accordance with section 9(2) of the Income Tax Ordinance (New Version) of 1961 (analogue of not for profit organizations); Israeli insurance companies; Israeli provident funds (analogue of pension funds); Israeli mutual funds in accordance with section 88 of the Income Tax Ordinance (New Version) of 1961. Note: if the beneficial owner is an Israeli resident for tax purposes that currently holds a valid Israeli Certificate of Withholding issued by the Israeli Tax Authority, which grants a withholding tax rate other than 0% to the beneficial owner, please contact Acupay at +1 212 422 1222 in New York or +44 207 382 0340 in London. This explanatory list of Investor Types is an indication only as to tax status of investor types as of the date of this notice. It should not be regarded as either conclusive or exhaustive, and is subject in all respects to the determinations of the Israel Ministry of Finance with respect to each investor. Investors should in any event consult their own tax advisors in connection with their tax status as may be applicable to the purchase or ownership of the Notes. 12